The SEC believes that providing the public additional time to consider and comment on the matters outlined in the staff memorandum and submit comprehensive responses would benefit the SEC in its consideration of the final rules.

On March 10th, SFIG submitted a request to the SEC citing similar benefits to a comment period extension. Many of our members made individual requests in a similar vein. The SFIG Regulation AB II Task Force will continue to meet and develop its positions. If you have not been participating in the task force but would like to join, please contact Alyssa.Acevedo@sfindustry.org.